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Contents

Official guidance
International Manual

INTM602300 · Transfer of assets abroad: Other general provisions

  • INTM602320 · Introduction
  • INTM602360 · No duplication of charges
  • INTM602380 · No duplication of charges - income to be taken into account once
  • INTM602400 · No duplication of charges - more than one person chargeable
  • INTM602420 · No duplication of charges - income taken into account in charging tax
  • INTM602440 · No duplication of charges - subsequent receipt of income
  • INTM602460 · No duplication of charges - changes from 6 April 2013
  • INTM602480 · Just and reasonable basis
  • INTM602500 · Applicable tax rates for the income charge
  • INTM602520 · Deductions and reliefs
  • INTM602540 · Double taxation relief
  1. Transfer of assets abroad: Other general provisions: contents
  2. Transfer of assets abroad: Other general provisions: Applicable tax rates for the income charge

INTM602500 | Transfer of assets abroad: Other general provisions: Applicable tax rates for the income charge

From HM Revenue & Customs · International Manual

One other way by which the legislation seeks to ensure that income charged to tax under the income charge is not subject to a double charge to tax is by affording relief where the income arising to the person abroad has borne income tax by deduction or otherwise (ITA07/S745).

The legislation provides that where any income has borne income tax at

  • the basic rate,

  • the savings rate, or

  • the dividend ordinary rate

that amount of tax is not charged again when charging the income under the income charge. In effect, a tax credit is available if the income which has been taxed is defined within its specific charging legislation as ‘income for all the purposes of the Taxes Acts’.

Under the transfer of assets legislation, the dividend income of a person abroad, taxable on the individual under the income charge, is treated as if it were actually received by the individual and is therefore charged at the dividend rate.

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